office of government information services report - government accountability office
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FREEDOM OFINFORMATION ACT
Office of GovernmentInformation ServicesHas BegunImplementing ItsResponsibilities, butFurther Actions AreNeeded
Report to the Committee onOversight and Government Reform,House of Representatives
September 2013
GAO-13-650
United States Government Accountability Office
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United States Government Accountability Office
Highlights ofGAO-13-650, a report to theCommittee on Oversight and GovernmentReform, House of Representatives
September 2013
FREEDOM OF INFORMATION ACT
Office of Government Information Services HasBegun Implementing Its Responsibilities, butFurther Actions Are Needed
Why GAO Did This Study
The OPEN Government Actof 2007amended FOIA and established OGISwithin the National Archives andRecords Administration to provideoversight and assistance to federalagencies in implementing FOIA. Toevaluate how effectively the office ismeeting its responsibilities, GAOassessed the actions that the office
has taken to (1) implement itsresponsibilities for reviewing agenciespolicies, procedures, and compliancewith FOIA; (2) mediate disputesbetween FOIA requesters and federalagencies; and (3) recommend policychanges to Congress and thePresident and develop and issueguidance and best practices to improvethe administration of FOIA. To do so,GAO analyzed documents describingthe offices plans and activities forconducting reviews, mediation casefiles, and documents describing its
policy recommendations made toCongress and the President and itsguidance and best practices. GAO alsointerviewed officials at relevantagencies.
What GAO Recommends
GAO is recommending that OGIS fulfillits statutory responsibilities byestablishing (1) a time frame forcompleting and implementing amethodology for proactively reviewingagencies policies, procedures, andcompliance with FOIA requirementsand (2) measures and goals for itsmediation services. In writtencomments on a draft of the report, theNational Archives and RecordsAdministration concurred with therecommendations.
What GAO Found
Since its establishment in 2009, the Office of Government Information Services(OGIS) has provided comments on proposed Freedom of Information Act(FOIA)regulations for 18 of 99 federal agencies that administer FOIA, as well as anumber ofPrivacy Actsystem of records notices. While OGIS has suggestedimprovements to a number of those regulations and notices, it has not performedthe reviews of regulations and notices in a proactive, comprehensive manner,and has not conducted any reviews of agencies compliance with the law. Inaddition, since it was established 4 years ago, the office has not developed amethodology for conducting reviews of agencies FOIA policies and procedures,
or for compliance with FOIA requirements. OGIS is in the early stages ofdeveloping a methodology for conducting such reviews, but has not established atime frame for completion. Until OGIS establishes a methodology and time framefor proactively reviewing agencies FOIA policies, procedures, and compliance,the office will not be positioned to effectively execute its responsibilities asrequired by the act.
OGIS is providing mediation services and is resolving disputes that mightotherwise go unresolved or lead to litigation, although not all of its efforts havebeen successful. OGIS has achieved positive results for about two-thirds of thecases reviewed by GAO where mediation services were provided. For example,in several cases, one or both parties took action or modified their position afterOGISs intervention. Nevertheless, the office lacks quantifiable goals andmeasures for its mediation activities, as required by law. For example, it does nothave goals to measure timeliness or success. Without these importantmanagement tools, OGIS cannot determine how effectively its mediation servicesare in improving the implementation of FOIA.
Since April 2012, OGIS has issued nine recommendations to Congress and thePresident aimed at improving the administration of FOIA. Theserecommendations focus on areas where OGIS could help agencies improve theirFOIA processes as well as areas where its role could be made more effective.These recommendations were based on its ongoing work with federal agenciesand with members of the public. In addition, while not required to issue guidanceor best practices, the office collects best practices for improving FOIA processingfrom several sources, including its reviews of agencies annual FOIA reports andmediation case files, as well as anecdotally from persons involved in mediation
cases facilitated by the office. OGIS shares these best practices in its annualreports and on its website and blog.
ViewGAO-13-650. For more information,contact Valerie C. Melvin at (202) 512-6304 [email protected].
http://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650mailto:[email protected]:[email protected]:[email protected]://www.gao.gov/products/GAO-13-650http://www.gao.gov/products/GAO-13-650 -
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Letter 1
Background 3
OGIS Has Assisted Agencies, but Has Not Proactively Reviewed
Agencies FOIA Policies, Procedures, and Compliance 8
OGIS Is Mediating Disputes, but Lacks Goals and Metrics for
Measuring Timeliness and Success 11
OGIS Has Made Recommendations and Issued Best Practices for
Improving the Administration of FOIA 16
Conclusions 21
Recommendations 21
Agency Comments and Our Evaluation 22
Appe ndix I Object iv es, Scope, and Methodology 23
Appendix II Comments from the Nati onal Archives and Records
Administ rati on 26
Appendix II I GAO Contact and Staff Acknowledgments 27
Table
Table 1: Examples of OGIS Best Practices for Improving Agencies
Implementation of FOIA 20
Figure
Figure 1: Organizational Chart Depicting OGIS within NARA 5
Contents
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Abbreviations
FOIA Freedom of Information ActJustice Department of JusticeOGIS Office of Government Information Services
OMB Office of Management and Budget
NARA National Archives and Records Administration
This is a work of the U.S. government and is not subject to copyright protection in theUnited States. The published product may be reproduced and distributed in its entiretywithout further permission from GAO. However, because this work may containcopyrighted images or other material, permission from the copyright holder may benecessary if you wish to reproduce this material separately.
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441 G St. N.W.Washington, DC 20548
September 10, 2013
The Honorable Darrell E. IssaChairmanThe Honorable Elijah E. CummingsRanking MemberCommittee on Oversight and Government ReformHouse of Representatives
The Freedom of Information Act(FOIA)1 requires federal agencies to
provide the public with access to government records and information onthe basis of the principles of openness and accountability in government.In this regard, each year hundreds of thousands of FOIA requests aremade to federal agencieswith the information released in response tothese requests contributing to the disclosure of government waste, fraud,
and abuse, as well as other conditions, such as unsafe consumerproducts and harmful drugs. However, keeping up with this demand forinformation and responding in a timely manner has been challenging forfederal agencies. Congress, in turn, has amended the act to guideagencies in the administration of their FOIA operations. One suchenactmentthe OPEN Government Act of 20072
Given the important role that OGIS has been assigned, we wererequested to evaluate how effectively the office is meeting its
responsibilities. In particular, our objectives were to assess the actions
that the office has taken to (1) review agencies FOIA policies,procedures, and compliance; (2) mediate disputes between FOIA
established the Office
of Government Information Services (OGIS) within the National Archivesand Records Administration (NARA) to oversee and assist agencies in
implementing FOIA. Toward this end, the office was charged withreviewing federal agencies FOIA policies and procedures and theircompliance with FOIA, and recommending policy changes to Congressand the President to improve the administration of FOIA. Additionally,OGIS was required to offer mediation services to resolve disputesbetween FOIA requesters and agencies.
15 U.S.C. 552.
2The Openness Promotes Effectiveness in our National (OPEN) Government Act of 2007,Pub. L. No. 110-175 (Dec. 31, 2007).
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requesters and federal agencies; and (3) recommend policy changes toCongress and the President, and develop and issue guidance and best
practices to agencies aimed at improving the administration of FOIA.
To assess the actions that OGIS has taken to review federal agenciesFOIA policies, procedures, and compliance, we analyzed availabledocumentation describing the offices plans and activities for conductingagency reviews. This included OGISs annual reports and quarterlyprogress reports that summarized its plans and activities. We alsoanalyzed the offices comments on proposed agency regulations, Privacy
Act of 19743 system of records notices,4 and correspondence. In
analyzing OGISs plans for conducting agency reviews, we appliedprogram evaluation guidance5
To assess OGISs actions in mediating disputes between FOIArequesters and federal agencies, we reviewed, among other things, lawsaddressing federal mediation activities, published literature on mediation,
and the offices documented procedures for mediating disputes. UsingOGISs case tracking system, we selected and reviewed the 44 cases
that focuses on assessing the
effectiveness of program operations and results.
6
35 U.S.C. 552a.
that were initiated in fiscal year 2012 and were characterized by the officeas involving facilitation, a type of mediation. We also reviewed the
corresponding paper files documenting the actions taken and the resultsof mediation activities for these cases. To determine the reliability of thedata in the system, we performed steps to ensure the data provided werevalid and reviewed how data are entered and validated. We testedduplicate records, missing values, and out-of-range values. We found thedata sources to be sufficiently reliable for our purposes.
4The Privacy Act of 1974 requires agencies to publish system of records notices in the
Federal Register to describe holdings of personal information in covered system ofrecords. 5 U.S.C. 552a(e)(4).
5GAO, Designing Evaluations: 2012 Revision,GAO-12-208G(Washington, D.C.: January2012).
6While 46 cases were initiated in 2012, we included 44 cases in our review. One case wasomitted because it involved only OGIS and agency officials, and a second was omittedbecause the case was not included in the data OGIS provided from which we made ourselection.
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To assess the offices actions to recommend policy changes to Congressand the President, we analyzed its documents describing policy
recommendations that were made to Congress and the President. Inaddition, we reviewed the Office of Management and Budgets (OMB)written responses describing its reviews of OGISs policyrecommendations and any applicable OMB guidance, such as theCircular A-197
We conducted this performance audit from October 2012 throughSeptember 2013 in accordance with generally accepted governmentauditing standards. Those standards require that we plan and perform theaudit to obtain sufficient, appropriate evidence to provide a reasonablebasis for our findings and conclusions based on our audit objectives. Webelieve that the evidence obtained provides a reasonable basis for our
findings and conclusions based on our audit objectives. Appendix Icontains a more detailed discussion of our objectives, scope, andmethodology.
and we interviewed officials from OMBs Office of General
Counsel. In addition, to assess OGISs actions to develop and issueguidance and best practices to federal agencies, we analyzeddocumentation on OGISs agency best practices, case studies, and the
offices suggestions regarding FOIA implementation. We supplemented
our analyses with interviews of NARA and OGIS officials.
FOIA established a legal right of access to government information on the
basis of the principles of openness and accountability in government.Prior to passage of the act in 1966, the government required an individualor entity to demonstrate a need to know before being granted the rightto examine a federal record. FOIA established a right to know standard,under which an individual or entity could receive access to informationheld by a federal agency without demonstrating a need or reason. The
right to know standard shifted the burden of proof from the individual orentity to the government agency holding the information and required theagency to provide proper justification when denying a request for access.
Any person, with a few exceptions, can file a FOIA request, includingforeign nationals, corporations, and organizations. For example, a foreign
7Office of Management and Budget, Legislative Coordination and Clearance, Circular No.A-19, (Washington, D.C.: Sept. 20, 1979).
Background
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national can request his or her alien file, and a commercial requester,which can include data brokers that file a request on behalf of others, may
request, among other things, a copy of a government contract or grantproposal. In response, the agency holding the desired record is requiredto provide it to the requester (unless the record falls within a permittedexemption).8
While FOIA has helped improve public access to government informationand has been a positive step toward providing more openness ingovernment, a March 12, 2007, House committee report accompanyingthe OPEN Government Act
Generally, FOIA allows agencies to collect a fee for
searching and duplicating records in connection with responding to arequest. Apart from providing access to records in response to a request,FOIA also requires agencies to disclose certain information by publicationin the Federal Registeror electronically (e.g., on the Internet), or by
making it available in a physical or electronic reading room.
9
pointed out that agencies receive hundreds
of thousands of FOIA requests a year, which has led to slow responsetimes, increased backlogs, and costly and time-consuming litigation
between requesters and the government. As such, according to thereport, FOIA requesters have argued that they would benefit from havingaccess to an ombudsman to provide guidance before, or as an alternativeto, litigation.
To help address the concerns surrounding FOIA implementation, theOPEN Government Act,10
review policies and procedures that agencies have developed toadminister FOIA;
among other things, established OGIS within
NARA to:
review agency compliance with FOIA requirements; recommend policy changes to Congress and the President to improve
the administration of FOIA; and
8Nine specific exemptions can be applied to withhold a requested record, for example,classified, confidential commercial, pre-decisional, privacy, and several types of lawenforcement information.
9Committee on Oversight and Government Reform, Freedom of Information ActAmendments of 2007, House Rep. No. 110-45 (2007).
10Pub. L. No. 110-175 (Dec. 31, 2007).
OGIS Was Establishedto Help Oversee the
Administration of FOIA
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offer mediation services to resolve disputes between individuals orentities making FOIA requests and agencies as an non-exclusivealternative to litigation.
OGIS was established within NARA, on September 8, 2009. The officeoperated directly under the Archivist of the United States until March 7,2011, when it was moved to Agency Services, which operates under theauthority of the agencys Chief Operating Officer. According to its charter,the mission of Agency Services is to lead NARAs efforts in servicing theongoing records management needs of federal agencies and to representthe publics interest in the accountability and transparency of these
records. OGIS is one of five supporting offices under Agency Services, asshown on the organization chart in figure 1.
Figure 1: Organizational Chart Depicting OGIS within NARA
Headquartered in Washington, D.C., OGIS is led by a director whoreports to the Executive of Agency Services. As of August 2013, theDirector was aided by a deputy director, an attorney advisor, twomanagement and program analysts, and a staff assistantfor a total of
six full-time employees.
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In addition to OGIS, other federal agencies also have responsibility for theoversight and administration of FOIA. Specifically, since it was
established 30 years ago, the Office of Information Policy within theDepartment of Justice (Justice) has been responsible for overseeing theadministration of FOIA by encouraging compliance, overseeing agenciesimplementation of the OPEN Government Act, and issuing policyguidance. As such, the office prepares a comprehensive guide thataddresses various aspects of the act; conducts a variety of FOIA-relatedtraining programs for personnel across the government; and usesattorneys to serve as counselors that provide FOIA information, advice,and guidance to government staff and the public regarding
implementation of the act. In addition, Justice represents federal agenciesin lawsuits brought by FOIA requesters.
According to Justice, as of fiscal year 2012, a total of 99 federal agencieshad responsibility for implementing FOIA. These agencies processrequests, publish related regulations, and submit annual reports through
the heads of their agencies to the Attorney General that include statisticson their FOIA processing. Further, the OPEN Government Actgaveagency chief FOIA officers responsibility for ensuring agencywidecompliance by monitoring implementation throughout the agency;recommending changes in policies, practices, staffing, and funding; andreviewing and reporting to agency heads and to Justice on the agencys
performance in implementing FOIA. (These reports are referred to aschief FOIA officer reports and are in addition to the annual reports thatagencies also submit to Justice.)
Over the past 6 years, we have issued several reports on federalagencies implementation of FOIA, including their progress in improvingFOIA processing and backlog reduction.
In 2007,11
11GAO, Freedom of Information Act: Processing Trends Show Importance of ImprovemenPlans,
we reported on 25 major agencies plans for improving
FOIA processing and noted that most of the plans included goals and
time tables addressing the areas of improvement emphasized by
GAO-07-441(Washington, D.C.: Mar. 30, 2007) and Freedom of Information Act:Processing Trends Show Importance of Improvement Plans,GAO-07-491T(Washington,D.C.: Feb. 14, 2007).
Other Federal AgenciesAlso Have FOIA-RelatedResponsibilities
GAO Has PreviouslyReported on AgenciesEfforts to Implement FOIA
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Executive Order 13392,12
In 2008,
which set forth a directive for a citizen-
centered and results-oriented FOIA. In particular, the order directedagencies to provide requesters with courteous and appropriateservice and ways to learn about the FOIA process, the status of theirrequests, and the public availability of other agency records. Theorder also instructed agencies to process requests efficiently, achievemeasurable process improvements (including a reduction in thebacklog of overdue requests), and reform programs that were notproducing the appropriate results. However, certain agencies hadomitted goals in areas where they were already considered to bestrong. We noted that all the plans focused on making measurable
improvements and formed a reasonable basis for carrying out thegoals of the executive order, although the details in a few plans couldbe improved. Thus, among other things, we recommended thatselected agencies strengthen their improvement plans. The agenciesgenerally agreed with our recommendations and took actions toaddress them.
13
More recently, in July 2012,
we reported that, following the emphasis on backlog
reduction in the executive order and agency improvement plans,many agencies had shown progress in decreasing their backlog ofoverdue requests. However, we identified several factors thatcontributed to the requests remaining open and recommended that,among other things, Justice provide additional guidance to agencies
on tracking and reporting overdue requests and planning to meetfuture backlog goals. In response to our recommendation, JusticesOffice of Information Policy developed guidance on tracking andreporting backlogged requests.
14
12Executive Order 13392, Improving Agency Disclosure of Information (Washington, D.C.:Dec. 14, 2005).
we reported that four agencies with
large backlogs had taken actions to decrease their backlogs, reducetheir use of exemptions, and make their FOIA records available to thepublic by electronic means. We noted, however, that not all agencycomponents were ensuring that frequently requested records werebeing made available online. Also, we reported that agencies were notalways taking advantage of best practices for FOIA processing by, for
13GAO, Freedom of Information Act: Agencies Are Making Progress in Reducing Backlog,but Additional Guidance Is Needed,GAO-08-344(Washington, D.C.: Mar. 14, 2008).
14GAO, Freedom of Information Act: Additional Actions Can Strengthen Agency Efforts toImprove Management,GAO-12-828(Washington, D.C.: July 2012).
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example, using a single tracking system and providing requesters withthe ability to track the status of their requests online. Werecommended that the agencies improve the management of theirFOIA programs by ensuring that actions were taken to reducebacklogs and the use of exemptions, improve FOIA libraries, andimplement technology. Officials from the four agencies agreed orgenerally agreed with the recommendations.
OGIS has engaged in several activities that, according to its officials,
were intended to respond to the OPEN Government Actrequirement that
it review federal agencies FOIA policies, procedures, and compliance.Specifically, OGIS has engaged in tasks such as making suggestions forimproving the clarity and readability of agencies proposed FOIAregulations and notices and offering general observations regardingagencies correspondence. For example, in 2010 and 2011, the officereviewed the Federal Register15
provide requesters with an estimated amount of fees, including abreakdown of the fees for the time staff devote to searching,reviewing, and/or duplicating records for a FOIA request;
to identify when agencies had submitted
FOIA regulations for public comment and then offered responses to the
requests for comments on the proposed regulations. In this regard, OGISoffered comments on improving the contents of regulations that had beenproposed by 18 agencies. Among the suggestions that it offered to one ormore of these agencies were that they:
add a statement to clarify the difference between a third-party requestmade under FOIA and a first-party request made under the Privacy
Act; notify requesters in writing when their requests have been referred to
another agency, and include the part of the request that has beenreferred and the name of the FOIA contact in that agency; and
recognize the important statutory role of the FOIA Public Liaison inreducing delays, increasing transparency, and understanding thestatus of requests.
15Published by NARA, the Federal Registeris the federal governments official dailypublication for rules, proposed rules, and notices of federal agencies and organizations,as well as executive orders and other presidential documents.
OGIS Has Assisted
Agencies, but Has NotProactively ReviewedAgencies FOIAPolicies, Procedures,and Compliance
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In addition, as part of its actions taken to review policies and procedures,in 2011 and 2012 the office responded to agencies requests in the
Federal Registerfor public comments on Privacy Actsystem of recordsnotices. The office commented on six such requests during these 2 years.For example, the office suggested that agencies include model languagein their system of records notices that would allow OGIS to shareinformation with the affected agency as a permitted disclosure under thePrivacy Act. According to the officials, without the model language, OGISwould be required to obtain written consent from each requester prior tobeing able to access their records when mediating a dispute.
Further, through various means (for example, FOIA roundtable meetings,website, and blog) in 2012 and 2013, OGIS invited agencies to submitFOIA correspondence, such as acknowledgment and close-out letters, forits review. According to OGIS, one agency responded to these invitationsand the office, in turn, made suggestions aimed at improving the clarityand readability of the agencys correspondence. Specifically, OGIS
provided comments to the National Geospatial Intelligence Agency on atemplate for its close-out letter that clarified the legal requirements toprotect from disclosure, information on the location of classified militarysystems personnel, and information on contractor proposals. Beyond thisactivity, the office offered Dispute Resolution Skills training to agencies,including the Departments of State, Homeland Security, and Health and
Human Services, and, as part of the training, provided instruction onimproving agency correspondence to requesters.
Nevertheless, while OGIS has engaged in these specific activities, nonewas a proactive, comprehensive evaluation of federal agencies FOIApolicies and procedures. Moreover, the office has not conducted anyreviews of agencies compliance with FOIA. Rather, the office hasgenerally worked in an ad hoc, reactive manner to respond to FederalRegister proposals put forth by agencies or to seek opportunities to
comment or provide training on correspondence and documentation otherthan FOIA policies and procedures. Furthermore, the activities that it has
undertaken have been limited to engaging with only a small fraction of the99 federal agencies that, according to Justice, have responsibility forimplementing FOIA. Similarly, while the office reported that it hasreviewed agencies annual FOIA reports and Chief FOIA Officer reports
from Justices Office of Information Policy website to identify bestpractices on improving FOIA processing, and has made generalobservations about agencies policies, procedures, and compliance withFOIA through the offices mediation case work, these actions were not
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undertaken as part of a specific review of agencies compliance withFOIA, as required by the OPEN Government Act.
A key factor contributing to the absence of proactive and comprehensivereviews of federal agencies FOIA policies, procedures, and complianceby OGIS is that the office has not established a structured methodologyfor conducting such reviews. Our work has determined that developing amethodology is critical to conducting quality, credible, and useful reviews.Our evaluation guidance states that a structured methodology shoulddefine, among other things, the scope, schedule, criteria, and evaluationquestions for conducting the reviews.16
The Director of OGIS acknowledged the limitations of the reviews that
had been conducted, stating that the office had prioritized its resources tofavor mediation activities. In this regard, the Director stated that the stafftasked with providing mediation services should function as neutral third
parties and be independent from staff tasked with reviewing agenciesFOIA policies, procedures, and compliance. However, the Director saidthat, given the small number of staff assigned to OGIS, the office has not
been able to establish a separate team of reviewers. OGIS officials addedthat the office is in the early stages of drafting a methodology forconducting the reviews, but that a time frame for when the methodologywill be completed has not been established. Further, while AgencyServices has identified a need for additional staff to support OGIS inimplementing its mission, it has not established a plan that addresses
how the office intends to staff the FOIA reviews. Industry practices stressthe importance of analyzing workforce needs and developing a plan ofaction for addressing those needs. Moreover, in September 2012, a
report issued by the Office of Inspector General at NARA concluded thatwhile OGIS was currently able to meet its mission, additional resourceswould allow the office to have a more robust program for conducting the
OGIS had not defined the scope
of work for its reviews, to include information on which specific agencies itwill review, (such as the agencies that receive the largest number of FOIArequests) and when it will do so. In addition, the office had not establishedthe criteria against which the agencies policies, procedures, andcompliance with FOIA requirements would be assessed; and it had not
developed evaluation questions to be used in conducting the reviews.
16GAO, Designing Evaluations: 2012 Revision,GAO-12-208G(Washington, D.C.: January2012).
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reviews.17
Until OGIS completes a methodology, and defines the resources neededto accomplish the requirements of the office as the NARA InspectorGeneral has recommended, the office will not be positioned to effectivelyexecute the responsibilities envisioned for it in assisting with thisimportant aspect of FOIA implementation.
The Office of Inspector General recommended that the Directo
of OGIS, through the budget process, define resources necessary tobetter accomplish the offices statutory requirement. As of early August2013, however, OGIS had not yet implemented this recommendation.
In response to the OPEN Government Act requirement that it offermediation services to resolve disputes between FOIA requesters andagencies as a non-exclusive alternative to litigation, OGIS defines twotypes of mediation services that it provides to address requests forassistance:18
Facilitation: A type of mediation in which an OGIS staff memberfacilitates communication between the requester and the agency,helping the parties to reach a mutually agreeable solution without theperceived formality or cost of mediation.
Ombuds services: Advice and services (other than mediation)offered in response to complaints that the office receives. Ombudsservices do not address the substance of a dispute (such as theexemptions taken), but rather, the mechanics of a dispute (such asthe status of a delayed request).
OGIS has a documented process for handling the requests that itreceives. Specifically, when a request is receivedby phone, e-mail, fax,or electronically through its websitea case file is opened and assigned
a tracking number in an automated case management system. Once acase has been opened, the office goes through a fact-finding process todetermine what services are called for, such as, helping the parties
exchange information or suggesting options for resolution. For each case,
17Office of Inspector General, National Archives and Records Administration,Audit ofNARAs Office of Government Information Services (September 2012).
18OGIS also handles what it calls quick hitsrequests for assistance that can beanswered immediatelysuch as how to file a FOIA request or an appeal.
OGIS Is MediatingDisputes, but LacksGoals and Metrics forMeasuring Timelinessand Success
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further actions taken by OGIS and the other parties involved, as well asany agreements reached, are recorded in the case management system.
During fiscal year 2012, OGIS accepted 855 requests for assistance: 46involved facilitation or both facilitation/ombuds services, and 239 involvedonly ombuds services. Of the remaining requests, 498 were classified byOGIS as a quick hit19
Of the 44 facilitation and facilitation/ombuds services cases that OGIS
initiated in 2012,
and 72 were classified as miscellaneous (for
example, administrative closure, no direct action requested, orrequest withdrawn.)
20
One or both parties took action or modified their position afterOGISs intervention. For example, a requester conducting familygenealogy research requested from the Social Security
Administration, a copy of a Social Security form pertaining to a familymember. In response, the agency sent the form to the requester, butthe subjects parents names had been redactedblacked outbecause the Social Security Administration does not revealinformation about a living person and, given their dates of birth, hadconcluded that the parents might still be alive. The requester filed anappeal and provided death certificates for the parents, but the appealwas denied. An OGIS mediator subsequently contacted a SocialSecurity Administration official on the requesters behalf to discuss thedenial. After reexamining the case, the agency agreed to send anunredacted document to the requester.
the office provided mediation for 30. (Most of the
remaining 14 were cases that OGIS did not mediate because it agreedwith the agencys decision on the FOIA request.) Further, among thecases that were mediated, we determined that 22 had a positive result, asdefined by one or more of the following three actions:
19A quick hit is not considered to be a case, but is entered into the case managementsystem. It does not involve mediation services but is a request for assistance that can beanswered immediately, such as a question about how to file a FOIA request or whom tocontact at an agency to get information about a request.
20While 46 cases were initiated in 2012, we included 44 cases in our review. One casewas omitted because it involved only OGIS and agency officials, and a second wasomitted because the case was not included in the data OGIS provided from which wemade our selection.
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One or both parties indicated increased satisfaction with theoutcome of the FOIA process as a result of OGISs mediation. Foexample, a representative of a trade organization, who had requestedcontract data from the Department of Homeland Security, hadreceived only part of the information requested. The agency withheldsubstantial information under a FOIA exemption protecting tradesecrets. The requester subsequently contacted OGIS, and a mediatorcontacted the agencys appeals officer and discussed the relevantcase law. In response to this action, the agency reconsidered itsdecision and provided the information with only minimal redactions.The customer noted that she was extremely happy with the results of
the mediation. The issue in dispute was clarified, addressed, or resolved after
OGIS intervened. For example, a requester asked the Securities andExchange Commission for all its files of a certain type and later askedOGIS for help because of a perceived delay in the agencys response
A mediator then contacted an official at the agency, who explainedthat the requested files were difficult to retrieve because some werepaper files that were not indexed and were geographically dispersed.The mediator explained this to the requester, who was initiallyunwilling to compromise but was open to an OGIS-facilitateddiscussion with the agency. The agency agreed, and OGISsubsequently facilitated a teleconference between the requester and
the agency, during which the two parties agreed that the requesterwould file a narrower request that the agency could fill promptly.
Overall, among these 22 cases, 9 involved a denial, in which an agencydeclined to release the requested records; 7 involved a delay, in which arequester believed the agency was taking too much time to fill a request;and 3 involved fees, where a requester believed the amount beingcharged was excessive or that a fee waiver was applicable. 21
21Agencies may charge fees for search and copying, but there are exceptions. Forexample, news media pay reduced or no fees. For all requesters, fees may be waived ifdisclosure of the information is in the public interest because it is likely to contributesignificantly to public understanding of the operations or activities of the government andis not primarily in the commercial interest of the requester.
The other 3
cases involved: a dispute over whether an appeal had been submitted ina timely manner, a customer disputing that an agency had not foundresponsive records, and a requester wanting results in a different format.
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Also, among the cases that OGIS mediated, we determined that 8 did nothave a positive result, as explained by the following examples:
In four cases, OGIS provided mediation services, but the agency didnot change its position on refusing to provide the requestedinformation. In one case, for example, the agency did not change itsposition that the requester needed to provide a waiver or proof ofdeath for the subject of the request in order for the agency to processthe request. In another example, the agency stood by its decision torefer the requester to a publicly available document.
In one case, the agency, after its initial meeting with OGIS and the
requester, was unwilling to continue to meet on matters related to theFOIA request.
In one case, OGIS held discussions regarding the agency not grantingthe requester free search time as required by FOIA and OMBsguidance. The agency did not change its position and the requesterpursued litigation regarding the matter.
In the remaining two cases, OGIS confirmed that the information therequesters were seeking was either exempt from disclosure, or therecord did not exist. For example, in one of these cases, the requesterhad sought a list of active Internal Revenue Service tax-exempt casesin litigation, but had received a no records response from theagency. As part of its mediation efforts, OGIS confirmed that the
agency did not keep the requested information in any of its records.
Of the 14 cases where mediation was not provided, 11 were cases whereOGIS agreed with the agencys decision to deny a request. For example,in one of the cases, a prison inmate requested a copy of the Bureau of
Prisons Correctional Services Manual, which addresses the operations offederal prisons. The bureau withheld the manual under a law enforcementexemption, stating that, while there may have been a public interest in thematerial, that interest did not outweigh the need to keep order in theprison system and avoid inmates using the information to their advantage.The requester then contacted OGIS, and the office responded that the
agencys actions had been consistent with FOIA law and policy and
declined to mediate. In another instance, a case was not mediatedbecause the agency declined to cooperate with OGIS. Further, for theremaining 2 cases, OGIS ultimately determined that they were ones inwhich mediation was not needed. For example, to resolve one of thecases, OGIS only needed to explain an agency letter to a requester.
Although it has taken actions to resolve disputesin many cases havingpositive results through mediationthe office lacks performance
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measures and goals needed to gauge the overall success of its mediationservices. The Government Performance and Results Act Modernization
Act of 201022
However, consistent with its fiscal year 2013 annual report, in which theoffice states that it has no formal metrics for measuring success, OGIShas not developed measures and goals for its mediation services. Whileits case management system can track the length of time required tohandle a particular case, the office currently has no specific goals related
to timeliness in handling requests for assistance. In this regard, in fiscalyear 2012, the office had a timeliness goal, derived from NARAs overallperformance plan, of closing cases within 34 working days. However,
according to the officials, this goal was dropped because it was not basedon the offices actual experience in handling the cases.
requires NARA, like all agencies, to develop an annual
performance plan that includes performance goals for its programactivities and accompanying performance measures, including timelinessand results-based measures. According to the act, the performance goalsshould be in a quantifiable and measurable form to define the level ofperformance to be achieved for program activities each year. Measuringperformance allows an agency to track the progress it is making towardgoals and gives managers crucial information on which to base their
organizational and management decisions. Leading organizations
recognize that performance measures can create powerful incentives toinfluence organizational and individual behavior.
23
OGIS also has no measures or goals pertaining to the results of itsmediation cases. For example, it has not established criteria fordetermining what constitutes success in a case or a goal for whatpercentage of its cases should have a successful result. OGISs Directorsaid that the office is aware of the need for such measures and is makingefforts to meet the need. The Director told us that OGIS has engaged aconsultant to help review its case management system, identify reasonsfor differing case closure times, and help develop more measurable
milestones. However, OGIS had not implemented measures as of mid-
August 2013. Further, the office has begun using an online questionnairewhere its customers can provide anonymous feedback on their
22Pub. L. No. 111-352, (Jan. 4, 2011), 124 Stat. 3866.
23In fact, OGIS reports that its cases were open an average of 89.5 days in fiscal year2012.
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Page 16 GAO-13-650 OGISs FOIA Responsibilities
experiences with OGIS and its staff. While this questionnaire may beuseful if enough responses are received,24
its value as a voluntary,
Web-based survey is limited: its respondents are self-selected, responsesare anonymous, and comments cannot be linked to specific cases or
contexts, thus limiting their usefulness. Until OGIS establishesquantifiable goals and measures of success for its mediation services, theoffice will not be positioned to determine how effectively it is performingmediation and contributing to the resolution of cases that might otherwisehave resulted in potentially costly litigation or gone unresolved.
As required by the OPEN Government Act, OGIS has maderecommendations to Congress and the President aimed at improving theadministration of FOIA. These recommendations have largely focused onimproving the internal coordination of government FOIA operations andareas where OGISs role could be made more effective. In addition, while
it has not issued specific guidance on FOIA implementation, OGIS hascollected best practices for improving FOIA processing for federalagencies.
Altogether, OGIS has made nine recommendations aimed at improvingthe FOIA processfive in 2012 and four in 2013. Seven of the
recommendations were specific to actions that the office believed itshould take (in certain cases in conjunction with agency partners andother stakeholders), while two of the recommendations focused on
actions to be taken by other federal agencies.
Specifically, OGIS recommended to Congress and the President actionsthat it had either taken or was planning to take to enhance its own role inadministering FOIA, as follows:
Work to encourage other departments and agencies to partner with itto expand dispute resolution training for their FOIA professionals sothat they can assist their FOIA colleagues in preventing and resolving
disputes.
24OGIS had received only one response in the first 5 months the survey was available.
OGIS Has MadeRecommendationsand Issued BestPractices forImproving theAdministrationof FOIA
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Work with other agencies to consider how the FOIA web portal(https://FOIAonline.regulations.gov/ ),25
Facilitate the coordination of interagency communication forgovernmentwide FOIA requests among agencies by serving as thecentral point-of-contact for agencies in sharing information, and alsofor relaying information to requesters as appropriate.
the governmentwide FOIA
portal, might be useful to them in carrying out their statutoryresponsibilities and use it to accept FOIA requests and allowresponsive documents to be uploaded and posted for the public.
Work with stakeholders from both inside and outside government toreview the issues surrounding FOIA fees and fee waivers, which
remains a persistent point of contention administratively and inlitigation.
Develop, with the Chief Information Officers Council, methods foragencies to better handle requesters seeking their own records underthe Privacy Actto improve how requesters navigate agencyprocesses to obtain needed assistance.
In conjunction with OMB, create a governmentwide Privacy Actroutine-use procedure to streamline the way in which agencies sharewith OGIS information covered by the act.
Work with agencies to streamline the process of requestingimmigration-related records because of the increased number ofrequests related to these records.
In addition, OGIS recommended that federal agencies take specificactions, as follows:
Encourage and support the use of dispute resolution in the agencyFOIA processes to prevent and resolve disputes administratively andavoid litigation.
Remind their staff of the importance of FOIA and recognize FOIA as apriority (based on the position that many agency employees may beunfamiliar with their own responsibilities under the law).
OGIS officials stated that the recommendations were based on the
offices ongoing work with federal agencies and members of the public.They acknowledged that the office had not compiled other information
25The website offers requesters one place to submit FOIA requests, track their progress,communicate with the processing agency, search other requests, access previouslyreleased responsive documents, and file appeals with participating agencies.
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that would be necessary to recommend substantive revisions tounderlying FOIA policies or otherwise suggest legislative actions to
Congress and the President. However, such information potentially couldhave been derived if OGIS had taken steps to conduct morecomprehensive reviews of agencies FOIA policies, procedures, andcompliance and had established and implemented results-basedmeasures for its mediation services.
According to its documentation, OGIS submitted the ninerecommendations over a 2-year period from February 2011 throughMarch 2013. The officials explained that their submission of these
recommendations followed periods of interagency review as requiredunder the process overseen by OMB. Specifically, they explained thatOGIS had submitted its first two draft recommendations for review inaccordance with the OMB Circular A-1926
Following discussion on the status of the two recommendations at acongressional hearing in March 2012,
on February 16, 2011. These
initial recommendations focused on developing, with the Chief InformationOfficers Council, methods for agencies to better handle requestersseeking their own records under the Privacy Actand in conjunction withOMB, creating a governmentwide Privacy Actroutine-use procedure.
Then, over the next 14 months, OMB and NARA had periodic discussionsregarding the significant number of interagency comments that OMB hadreceived on the recommendations.
27
26OMB Circular A-19, Legislative Coordination and Clearance (Sept. 20, 1979), requiresfederal agencies to submit to OMB for review proposed legislation, testimonies, reports,and other documents they intend to submit to Congress. According to the circular, OMB
performs legislative coordination and clearance functions to (a) assist the President indeveloping a position on legislation, (b) make known the administrations position onlegislation for the guidance of the agencies and information of Congress, (c) assureappropriate consideration of the views of all affected agencies, and (d) assist thePresident with respect to action on enrolled bills. According to OMB, the length of thisreview varies depending on the comments provided by the agencies.
OGIS submitted three additional
recommendations to OMB for review. OMB officials said they then workedwith OGIS to address interagency comments on the threerecommendations, as well as the initial two recommendations.
27The hearing, entitled The Freedom of Information Act: Safeguarding CriticalInfrastructure Information and the Publics Right to Know, was held on March13, 2012, bythe Senate Judiciary Committee.
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After OMB completed its review in mid-April 2012, OGIS informedCongress28
In mid-January 2013, OGIS and OMB officials met to discuss a secondset of potential recommendations that the office intended to submit. The
office subsequently submitted four recommendations to OMB for Circular
A-19 review on March 4, 2013. According to OGIS officials, the review ofthese recommendations was completed on March 12, 2013, and therecommendations were provided to Congress on March 13, 2013, tosupport a congressional hearing during Sunshine Week.
that its recommendations did not include any substantive
revisions to the disclosure requirements of FOIA. OGIS officialssubsequently stated that, as a result of the interagency consultationprocess, OGIS and OMB had agreed that the five recommendationscould be addressed administratively and did not require any legislativeaction.
29
Although OGIS does not issue specific guidance on FOIAimplementation, 30
28Letter from the Director of OGIS to Chairman Patrick Leahy and Ranking MemberCharles Grassley, Senate Judiciary Committee, Apr. 13, 2012.
it collects and shares best practices for improving
federal agencies processing of FOIA requests. According to OMB, bestpractices are the processes, practices, and systems identified in publicand private organizations that work exceptionally well and are widely
recognized as being helpful in improving an organizations performanceand efficiency in specific areas. Best practices can be based on lessonslearned from positive experiences or on negative experiences that resultin an undesirable outcome. In addition, guidance states that the use of
29Sunshine Week is a national initiative to promote a dialogue about the importance ofopen government and freedom of information. Participants include news media, civicgroups, libraries, nonprofits, schools, and others interested in the publics right to accessto information.
30The OPEN Government Actdoes not require OGIS to issue guidance. Justices Office oInformation Policy is responsible for developing, coordinating, and implementing policyand guidance under a regulation authorizing it to exercise the functions vested in the
Attorney General by FOIA. 28 C.F.R.0.24.
OGIS Does Not IssueGuidance, butDisseminates BestPractices for ImprovingFOIA Processing
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Page 20 GAO-13-650 OGISs FOIA Responsibilities
best practices is a principal component of an organizational culturecommitted to continuous improvement.31
Toward this end, OGIS collects best practices for improving FOIA
processing from several sources, including its reviews of agenciesannual FOIA reports and mediation case files, as well as anecdotally frompersons involved in mediation cases facilitated by the office. OGISpublishes best practices related to key FOIA requirements and guidancein its annual reports, and on its website (
https://ogis.archives.gov/ ) andblog (http://blogs.archives.gov/foiablog/ ). The website includes a number
of links describing various best practices specifically for FOIA requestors
and federal agencies. Table 1 describes examples of the best practicesOGIS has disseminated.
Table 1: Examples of OGIS Best Practices for Improving Agencies Implementation of FOIA
Selected best practice Description
Communications and customer service Agencies should post in plain language information about fees, fee categories, and feewaivers.
Once a FOIA request has been received and acknowledged, an agency can continue topractice good customer service communication. For example, one approach is to create anonline system to allow a requester to easily check the status of their request.
Agencies should provide in writing to the requester the tracking number and contact
information for the FOIA Public Liaison and the FOIA professional assigned to the case asquickly as possible.
FOIA database requests Involve the requester early on, particularly if the requester is a database expert. Many arewilling to share their knowledge with agencies to help move the FOIA process forward. Takethem up on any offers to share their expertise and consider allowing them to talk directlywith the IT staff to discuss the best approaches for responding to their request.
Agency FOIA regulations For drafting FOIA regulations, agencies should bring attorneys, FOIA processors, recordsmanagers, and IT professionals to the table. Each will bring a different perspectiveplus, awell-organized team can lighten the load for a single person on a tedious but important task.
Contacting requesters Contact with requesters need not always be by mail. Often, it may be more efficient tocontact the requester by e-mail or by telephone; these messages can be memorialized inwriting later.
Tracking requests Provide in writing to the requester the tracking number and contact information for the FOIAPublic Liaison as quickly as possible.
Source: GAO analysis of OGIS best practices.
31Aha, D., Becerra-Fernandez, I., and Weber, R., Categorizing Intelligent LessonsLearned Systems, Technical Report AIC-00-005. (Washington, D.C.: Naval ResearchLaboratory, Navy Center for Applied Research in Artificial Intelligence. 2000), 63-67.
https://ogis.archives.gov/https://ogis.archives.gov/https://ogis.archives.gov/http://blogs.archives.gov/foiablog/http://blogs.archives.gov/foiablog/http://blogs.archives.gov/foiablog/http://blogs.archives.gov/foiablog/https://ogis.archives.gov/ -
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Page 21 GAO-13-650 OGISs FOIA Responsibilities
OGIS officials stated that the office updates its blog at least weekly withposts addressing best practices, case studies, and where the public and
federal agencies can engage in discussions about FOIA issues. Inaddition, OGIS uses other mechanisms to improve the administration ofFOIA, to include presenting training for FOIA professionals; holdingconferences with the American Society for Access Professionals to sharebest practices; and, at the start of fiscal year 2013, helping to launch theFOIA web portal (https://FOIAonline.regulations.gov/ ).
Since it was established 4 years ago, OGIS has taken actions to
implement selected legislative responsibilities, although it has fallen shortin certain areas. Specifically, while the office has suggestedimprovements to a number of agencies FOIA regulations and system ofrecords notices, it has not completed a methodology for proactivelyreviewing agencies policies, procedures, and compliance with FOIArequirements and a time frame for doing so. As a mediator between
requesters and federal agencies, OGIS has resolved cases that mighthave otherwise resulted in litigation. However, while we were able toidentify instances in which its mediation efforts have had positive results,the offices overall success in mediating cases is difficult to gauge withoutgoals and performance measures. On the basis of its reviews of agencypolicy and procedures, and mediation experience, OGIS has made a
number of recommendations to Congress and the President and sharedbest practices to help agencies improve the administration of FOIA.However, addressing the shortfalls that we noted is critical to OGISeffectively complying with its role as required by law.
To ensure that OGIS effectively performs its responsibilities under FOIA,as amended by the OPEN Government Act, we recommend that the
Archivist of the United States direct the Executive for Agency Services
and the Director of OGIS to take the following two actions:
Establish a time frame for completing and implementing amethodology that defines, among other things, the scope, schedule,criteria, and evaluation questions for conducting reviews of federalagencies FOIA policies, procedures, and compliance.
Establish performance measures and goals for OGISs mediationservices that define success in handling a case and include relevantgoals for the number of cases handled successfully, as well as goalsfor timely management of cases based on past experience.
Conclusions
Recommendations
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We provided drafts of this report to NARA and OMB for comment. In itswritten comments, which are reprinted in appendix II, NARA expressed
appreciation for our attention to issues facing OGIS and concurred withthe two recommendations in the report. NARA also specifically discussedactions that it was taking or planned to take related to our secondrecommendation. In particular, the agency stated that OGIS hasconsulted with other mediation and ombudsman offices on how toevaluate its services and will continue to do so. NARA added that it hasbeen difficult to measure success and that the offices resolution of adispute is dependent on outside factors that are beyond OGISs control,such as the willingness of the parties to participate in voluntary mediation
services. Further, NARA stated that it appreciated our suggestionsregarding measures for success and would consider these suggestionsas the office assesses measures for the upcoming fiscal year.
In addition to the aforementioned written comments, we receivedtechnical comments, via e-mail, from NARAs Audit Liaison and OMBs
Audit Liaison, which we have incorporated, as appropriate.
We are sending copies of this report to the appropriate congressionalcommittees; the Archivist of the United States; Executive for AgencyServices, Director of OGIS, and other interested parties. Copies of this
report will also be available at no charge on the GAO Web site, athttp://www.gao.gov.
Should you or your staffs have any questions on the informationdiscussed in this report, please contact me at (202) 512-6304 [email protected] points for our Offices of CongressionalRelations and Public Affairs may be found on the last page of this report.GAO staff who made major contributions to this report are listed inappendix III.
Valerie C. MelvinDirector, Information Managementand Technology Resources Issues
Agency Commentsand Our Evaluation
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Appendix I: Objectives, Scope, andMethodology
Page 23 GAO-13-650 OGISs FOIA Responsibilities
Our objectives were to assess the actions that the Office of GovernmentInformation Services (OGIS) has taken to (1) review agencies Freedom
of Information Act(FOIA) policies, procedures, and compliance, (2)mediate disputes between FOIA requesters and federal agencies, and (3)recommend policy changes to Congress and the President, and developand issue guidance and best practices to agencies aimed at improvingthe administration of FOIA.
To assess the actions OGIS has taken to review agencies FOIA policies,procedures, and compliance, we analyzed documentation describing theoffices plans and activities for conducting agency FOIA reviews. These
included the offices annual reports for fiscal years 2011 through 2013,quarterly reports, NARAs annual performance plan for fiscal years 2011through 2013, and the offices comments on 18 proposed agencyregulations and six Privacy Act system of records notices. We analyzedOGISs comments on agency FOIA correspondence, such as closeoutletters, and training materials on improving agency correspondence to
requesters. We compared the plans and activities to our programevaluation guidance1
To assess the actions that OGIS has taken to mediate disputes betweenrequesters and federal agencies, we reviewed theAdministrative Dispute
Resolution Act of 1996; published literature on mediation and alternativedispute resolution; and our prior work on alternative dispute resolution.We discussed the offices activities with its officials, reviewed itsmediation process and definitions, and compared them with third-partysources. We attended training on dispute resolution that was presentedby OGIS. We also reviewed the initial results of the offices onlinecustomer survey. We then selected the 44 cases
that focuses on assessing the effectiveness of
program operations and results. We also analyzed OGISs comments onthe proposed agency regulations and compared them to the latest versionof the agencys regulations to determine whether they were incorporated.
2
1GAO, Designing Evaluations: 2012 Revision,
that had been initiated
in 2012 and that were characterized by OGIS as involving facilitation. We
GAO-12-208G(Washington, D.C.: January2012) and Program Evaluation: Studies Helped Agencies Measure or Explain ProgramPerformance,GAO/GGD-00-204(Washington, D.C.: Sept. 29, 2000).
2While 46 cases were initiated in 2012, we included 44 cases in our review. We omittedtwo cases: one because it involved only OGIS and the agencys FOIA staff, and onebecause it was not included in the data that OGIS provided, and from which we made ourselection.
Appendix I: Objectives, Scope, andMethodology
http://www.gao.gov/products/GAO-12-208Ghttp://www.gao.gov/products/GAO-12-208Ghttp://www.gao.gov/products/GAO-12-208Ghttp://www.gao.gov/products/GAO/GGD-00-204http://www.gao.gov/products/GAO/GGD-00-204http://www.gao.gov/products/GAO/GGD-00-204http://www.gao.gov/products/GAO/GGD-00-204http://www.gao.gov/products/GAO-12-208G -
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Appendix I: Objectives, Scope, andMethodology
Page 24 GAO-13-650 OGISs FOIA Responsibilities
examined the corresponding paper case files as well as data from theoffices automated case tracking system.
We developed criteria, after discussions with OGIS, for verifying whethera case involved mediation and for determining the result of the officesmediation efforts. Specifically, we verified that a case was an example ofmediation if one of the following occurred:
Other than the initial contact, OGIS had two or more substantivecontacts with either party.
The office suggested options for changing a position or decision to
either party. Either party changed a decision or position (e.g. the agency waived
fees or provided additional documents, or the requester narrowed thescope of a request).
We considered the offices mediation efforts to have had a positive resultif at least one of the following events occurred:
One or both parties took some action or modified their position afterOGISs intervention (for example, the agency reduced fees orprovided further documents).
One or both parties indicated increased satisfaction with the outcome
of the FOIA process as the result of the offices mediation. The issue in dispute was clarified, addressed, or resolved.
To determine the reliability of data from OGISs case tracking system, we
performed basic steps to ensure the data provided were valid andreviewed relevant information describing the database. Specifically, wetested for duplicate records, missing values, and out-of-range values inthe data received from OGIS. We assessed the reliability of the systemused to maintain these data. To determine the reliability of the case data,we independently replicated a report generated by the software and
compared it to documents provided by OGIS to determine whether thedata matched. Also, we conducted interviews with agency officials to gainan understanding of the process by which data are entered and validated.Based on the results of these efforts, we found the data sources to besufficiently reliable for our purposes.
To assess the offices actions to recommend policy changes to Congressand the President, we reviewed documentation describing policyrecommendations that were made to Congress and the President. We
analyzed annual reports on the status of the implementation of these
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Appendix I: Objectives, Scope, andMethodology
Page 25 GAO-13-650 OGISs FOIA Responsibilities
recommendations. In addition, we reviewed the Office of Managementand Budgets (OMB) written responses describing its reviews of OGISs
policy recommendations, as well as any applicable OMB guidance, suchas the Circular A-19. We supplemented our analyses with interviews ofthe Director of OGIS, the Acting Executive for Agency Services (theNARA organization in which OGIS is located), officials from OMBs Officeof General Counsel, and other cognizant NARA and OGIS officials. Toassess OGISs actions to provide best practices to federal agencies, wereviewed documentation of OGISs agency best practices, case studies,and suggestions regarding FOIA included in the annual reports, and onthe website and blog. We also observed OGIS meetings with other
agencies, FOIA requesters, and the general public to discuss FOIAtopics, such as the administration of fees and access to records throughFOIA libraries. We supplemented our analyses with interviews of relevantOGIS officials to discuss the process used to identify best practices andmeasures established to evaluate their use by federal agencies.
We conducted this performance audit from October 2012 throughSeptember 2013 in accordance with generally accepted governmentauditing standards. Those standards require that we plan and perform theaudit to obtain sufficient, appropriate evidence to provide a reasonablebasis for our findings and conclusions based on our audit objectives. Webelieve that the evidence obtained provides a reasonable basis for our
findings and conclusions based on our audit objectives.
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Appendix II: Comments from the NationalArchives and Records Administration
Page 26 GAO-13-650 OGISs FOIA Responsibilities
Appendix II: Comments from the NationalArchives and Records Administration
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Appendix III: GAO Contact and StaffAcknowledgments
Page 27 GAO-13-650 OGISs FOIA Responsibilities
Valerie C. Melvin, (202) 512-6304 [email protected]
In addition to the contact named above, key contributors to this reportwere Cynthia J. Scott (assistant director), Nancy Glover, Cynthia Grant,
Ashfaq Huda, Alina J. Johnson, Ruben Montes de Oca, Freda Paintsil,David Plocher, Glenn Spiegel, and Walter Vance.
Appendix III: GAO Contact and StaffAcknowledgments
GAO Contact
StaffAcknowledgments
(310995)
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